IMPLICATIONS: Joining WTO is imperative for fruitful integration in the global economy, attracting foreign direct investments, diversifying the economic base, boosting exports, fostering economic growth and development, and enhancing the welfare of populations characterized by very low incomes and widespread poverty. The rather large number of regional integration schemes, in this context, may raise legitimate doubts about their credibility and mutual compatibility; they could eventually delay WTO accession and make membership more complicated. Nevertheless, regional trade and further integration in the world economy can be fostered with the adoption of so-called \"trade facilitation measures\". Such measures can be imposed unilaterally or on a bilateral basis. Trade Facilitation is often defined as \"the simplification and harmonization of international trade procedures\" with trade procedures being the \"activities, practices and formalities involved in collecting, presenting, communicating and processing data required for the movement of goods in international trade\". This definition encompasses import and export procedures (e.g. customs or licensing procedures), transport formalities, payments, insurance and other financial requirements. Work in the area has been carried out by international organisations. De facto, the United Nations Economic Commission for Europe (UNECE) plays a major role as the organisation that has developed standards for trade facilitation for more than 40 years with: the UN Layout Key for trade documents, guidelines for national trade facilitation bodies, codes for locations (LOCODE), trade data elements (UN/TDED), the only global standard for electronic data interchange (UN/EDIFACT) as well as key–expertise on trade facilitation. The World Bank and the European Bank for Reconstruction and Development (EBRD) are also involved in trade facilitation activities. The adoption and the implementation of standard trade facilitation measures must be integrated in a strategy that includes other elements such as investing in equipment and infrastructure to accelerate the processing of formalities, training staff, recruiting qualified personnel and enhancing ethical standards within the framework of anti-corruption strategies. Such a strategy shall make the trade system much more transparent, contribute to higher levels of customs duties collection and enhance national and global security.
CONCLUSIONS: There is a need for leaders and policy-makers in Central Asia to reassess their participation in an excessive number of regional economic integration schemes, taking into account the possibility of mutual incompatibility, low effectiveness and seemingly poor outcomes and prospects. In the calculus of leaders, the limited benefits of these regional integration schemes versus the long-term implications of WTO membership on trade, investments, growth and welfare is bound to eventually become obvious. From a very practical perspective, the way ahead is to grant priority to the adoption and effective implementation of trade facilitation strategies and measures and, for that purpose, it is critical to secure adequate technical assistance that is provided by international organizations. It should also be made clear that trade facilitation measures may conflict with very powerful vested interests that benefit from the lack of transparency of the trade system.
AUTHOR’S BIO: Dr. Daniel Linotte earned his D.Phil. at Oxford University. He is currently Senior Economic Adviser to the OSCE. He worked for international organisations (UNIDO, UNECE, UNCTAD, OECD, Council of Europe, etc) and technical assistance agencies. He spent three years in Georgia as a chief economist, advising on WTO matters. The views expressed in this article are those of the author only and do not necessarily reflect an OSCE official position.